City, State, and Zip Code are the ONLY requirements when posting comments and
you can post multiple comments.
Below are twelve comments you can make, just copy a comment and paste it into the comment area at
Then go back and do it again, until you have added all twelve.
1
I support a renewable Special Use Permit for Drakes Bay Oyster Company
I support the Collaborative Management Alternative proposed by Drakes Bay Oyster Company.
DBOC must be allowed to continue the existing uses under the existing California Department of Fish and Game leases and regulatory authority.
2
Potential impact on wildlife is not properly assessed.
The dEIS claims that removing the oyster farm would benefit harbor seals; that claim is false. Drakes Estero is currently home to one of the largest harbor seal populations on the California coast and the harbor seal population has remained constant for decades, according to Dr. Sarah Allen’s Annual report on Harbor Seals at Drakes Estero.
I support a renewable Special Use Permit for Drakes Bay Oyster Company
I support the Collaborative Management Alternative proposed by Drakes Bay Oyster Company.
DBOC must be allowed to continue the existing uses under the existing California Department of Fish and Game leases and regulatory authority.
3
I support a renewable Special Use Permit for Drakes Bay Oyster Company, especially the Collaborative Management Alternative proposed by Drakes Bay Oyster Company.
The dEIS includes much discussion about special-status species
It concludes that the oyster farm could potentially negatively impact these species
NONE OF THE SEVEN Endangered species mentioned in the dEIS live in the project area!
- § NO Myrtle Silverspot Butterfly live IN project area they make their habitat nearby, but not IN the project area (dEIS pg 187)
- § NO Red-legged frogs live in the project area: salt water kills them
- § NO Ca Coho Salmon live in project area (dEIS pg 189)
- § NO Central Ca Steelhead live in project area (dEIS pg 190)
- § NO Leatherback Turtles live in project area (dEIS pg 191)
- § NO Western Snowy Plovers live in project area (dEIS pg 192)
- § NO Ca Least Terns live in project area (dEIS pg 192)
The dEIS fails to provide an accurate assessment of the oyster farm’s proven ability to operate without harming wildlife or wildlife habitat.
The final document should reconsider all wildlife issues and provide a data based assessment.
I support a renewable Special Use Permit for Drakes Bay Oyster Company
I support the Collaborative Management Alternative proposed by Drakes Bay Oyster Company.
DBOC must be allowed to continue the existing uses under the existing California Department of Fish and Game leases and regulatory authority.
4
Environmental benefits are misrepresented and/or missing.
PRNS has been rebuked for misrepresenting the facts about the environmental benefits of oyster farming yet, the dEIS misrepresents those facts again, calling the removal of the oyster farm the “environmentally preferable” alternative.
The dEIS fails to address the important ecological services provided by oysters, including filtering water and reducing nitrogen in the water. Drakes Estero is one of the most pristine estuaries IN THE COUNTRY DUE TO THE PRESENCE OF THE OYSTERS.
The dEIS fails to address the environmental impacts of the following:
- § Replacing a local, sustainable food source with 35,000 pounds of oysters that would have to be flown in from Asia each week to compensate
- § Comparisons of the carbon footprint of the existing food source with the replacement food source must be analyzed in the dEIS.
- § The dEIS fails to consider world population food needs.
- o 1960 world population 3 BILLION PEOPLE
- o 2011 world population 7 BILLION PEOPLE, 2.33 times greater in 51 years
I support a renewable Special Use Permit for Drakes Bay Oyster Company
I support the Collaborative Management Alternative proposed by Drakes Bay Oyster Company.
DBOC must be allowed to continue the existing uses under the existing California Department of Fish and Game leases and regulatory authority.
5
Economic impacts are not adequately addressed.
The dEIS states, removing the oyster farm would cause “major, long-term, adverse effects to the California shellfish market” but
- § The dEIS does not provide a complete analysis of these MAJOR, LONG-TERM, ADVERSE IMPACTS!
- § The dEIS does not include these impacts in the overall analysis.
- § The dEIS does not analyze the impacts of eliminating one of the largest employers in West Marin.
The dEIS must assess and address the economic impacts of eliminating the production of nearly 40% of California’s oysters and the subsequent impact on the economy.
I support a renewable Special Use Permit for Drakes Bay Oyster Company
I support the Collaborative Management Alternative proposed by Drakes Bay Oyster Company.
DBOC must be allowed to continue the existing uses under the existing California Department of Fish and Game leases and regulatory authority.
6
Socioeconomic impacts are not properly addressed furthermore the analysis is flawed.
Geographic parameters used throughout this chapter
- § Switch back and forth from Inverness proper, to greater West Marin, to Marin in general, to Multi-County, to Statewide, and even to Nationwide.
- § This switching of parameters is used to argue that the job losses would be minimal.
Considered properly:
- § DBOC is one of the largest employers in the area.
- § West Marin is a community isolated 20 miles away from the main population of the county by farms, ranches, open space and parkland therefore, these job losses would be anything but minimal
The analysis presented here is insufficient.
This section should be reformulated and corrected for the dEIS.
I support a renewable Special Use Permit for Drakes Bay Oyster Company
I support the Collaborative Management Alternative proposed by Drakes Bay Oyster Company.
DBOC must be allowed to continue the existing uses under the existing California Department of Fish and Game leases and regulatory authority.
7
Impacts to local habitat restoration efforts and endangered species are not addressed
- § The oyster shell byproduct from the Drakes Bay Oyster Farm cannery is the sole, critical resource for reestablishing native oyster beds, and for restoring CA Least Tern and Western Snowy Plover habitat, in San Francisco Bay.
- § The California Least Tern is a U.S. federally listed endangered species
- § The Snowy Plover is in decline due to habitat loss.
- § If Drakes Bay Oyster farm were shut down, the restoration operations could also be shut down.
- § The d EIS does not address the impacts to wildlife or the environmental issues surrounding the loss of these restoration efforts.
- § The dEIS should correct these flaws.
I support a renewable Special Use Permit for Drakes Bay Oyster Company
I support the Collaborative Management Alternative proposed by Drakes Bay Oyster Company.
DBOC must be allowed to continue the existing uses under the existing California Department of Fish and Game leases and regulatory authority.
8
The historic cultural role of the oyster farm in West Marin is not adequately addressed. The EIS must assess
- § The cultural impacts of eliminating an institution that has been in operation for generations
- § The importance to
- § Park visitors
- § Local restaurants
- § Local food shed
I support a renewable Special Use Permit for Drakes Bay Oyster Company
I support the Collaborative Management Alternative proposed by Drakes Bay Oyster Company.
DBOC must be allowed to continue the existing uses under the existing California Department of Fish and Game leases and regulatory authority.
9
Existing management policies are not considered.
- § The current General Management Plan for Point Reyes National Seashore, adopted in 1980, strongly supports the continued operation of the oyster farm, as do all of the relevant Marin County planning documents.
- § The d EIS does not include any reasons for, or discussion of, this decision to bypass
- § The existing General Management Plan and
- § Marin County’s planning processes
The existing management policies must be considered and addressed.
I support a renewable Special Use Permit for Drakes Bay Oyster Company
I support the Collaborative Management Alternative proposed by Drakes Bay Oyster Company.
DBOC must be allowed to continue the existing uses under the existing California Department of Fish and Game leases and regulatory authority.
10
National aquaculture policies are ignored.
Shellfish aquaculture is widely recognized nationally, and globally, as having a valuable role in the protection of wild fish resources.
The National Oceanic and Atmospheric Administration (NOAA) is encouraging aquaculture for this and many other reasons.
The dEIS should consider these policies.
I support a renewable Special Use Permit for Drakes Bay Oyster Company
I support the Collaborative Management Alternative proposed by Drakes Bay Oyster Company.
DBOC must be allowed to continue the existing uses under the existing California Department of Fish and Game leases and regulatory authority.
11
None of the alternatives is appropriate. While the NEPA process mandates the consideration of a “no-action alternative,” there are no alternatives presented in the dEIS that qualify as “no-action.”
- § Alternative A forces DBOC out of business next year,
- § The other alternatives force it to shut down in 10 years.
- § The DEIS fails to provide a valid status-quo baseline.
- § A new set of alternatives must be created that meet the actual criteria for this process.
I support a renewable Special Use Permit for Drakes Bay Oyster Company
I support the Collaborative Management Alternative proposed by Drakes Bay Oyster Company.
DBOC must be allowed to continue the existing uses under the existing California Department of Fish and Game leases and regulatory authority.
12
DRAKES BAY OYSTER COMPANY SPECIAL USE PERMIT:
Collaborative Management Alternative
COLLABORATIVE MANAGEMENT ALTERNATIVE: A Ten-Year Special Use Permit with Option for Extension; Rehabilitation of Existing Facilities; and Construction of New Processing Facilities
This alternative permits DBOC to continue to utilize onshore facilities within the Seashore (PRNS) pastoral zone to support shellfish cultivation in Drakes Estero pursuant to its leases from the California Department of Fish and Game [CDFG]. DBOC would pay “fair market value” for use of the on-shore facilities, which would take into account the value of interpretive services provided and the investment needed to rehabilitate existing facilities and construct new processing facilities. The rehabilitation and construction work would be as described in the discussion of Alternative D.
Under this alternative, DBOC will collaborate with relevant organizations, including but not limited to the NPS, the CDFG, the UC SeaGrant program, and other educational and research agencies and in developing interpretive programs and scientifically valid research projects as recommended by the NRC and MMC. This alternative provides educational opportunities for people of all ages, including Seashore visitors, students, and researchers, relating to estuarine ecology and mariculture.
This alternative is consistent with the “national interest” expressed in President Clinton’s May 26, 2000 Executive Order 13158 directing the Departments of Commerce (DOC) and Interior to expand and strengthen the “Nation’s system of marine protected areas.” It respects the California Fish and Game Commission designation, effective May 2010, of Drakes Estero as a State Marine Conservation Area (SMCA), a protected area in which recreational clam digging and shellfish cultivation pursuant to CDFG leases are permitted. DBOC’s operation within a SMCA and PRNS presents a unique opportunity for collaborative research that supports the policies of the National Shellfish Initiative [Initiative] announced by NOAA and DOC in June 2011, and responds directly and positively to NRC and MMC recommendations regarding collaborative efforts to inform adaptive management of Drakes Estero.
This alternative supports the goals of the Initiative, which are to increase domestic seafood production, create sustainable jobs, and restore marine habitats. It provides opportunities for research as called for by the Initiative, “….on the interactions between shellfish and the environment in terms of climate change, ocean acidification, naturally occurring pathogens and parasites, and other factors . . .” This alternative supports DBOC’s efforts to restore native oysters in Drakes Estero and to study the potential for native oysters to withstand the effects of global ocean acidification now beginning to affect all Pacific coast shellfish.
This alternative sustainably supports the local economy by continuing to attract thousands of ethnically diverse visitors to West Marin every year and continuing to provide over half of the San Francisco Bay Area’s sustainably farmed shellfish. It protects desperately needed affordable housing for farm workers on remote Point Reyes ranches.
Under this alternative, DBOC will continue to provide essential oyster shell for environmental programs, such as the San Francisco Bay Native Oyster Restoration Project, the SF Bay Bird Observatory Snowy Plover Habitat Enhancement Project and the California Department of Fish and Game Least Tern Habitat Enhancement Project.
This alternative supports a landscape that is ecologically and economically sustainable. It is consistent with the natural resource management provisions in the PRNS General Management Plan, and enables the Seashore to collaboratively integrate ecosystem science and natural and cultural resource management to better understand and manage relationships among the physical, biological, and cultural elements of a working land and seascape, while maintaining its distinctive “sense of place and character.”
I support a renewable Special Use Permit for Drakes Bay Oyster Company
I support the Collaborative Management Alternative proposed by Drakes Bay Oyster Company.
DBOC must be allowed to continue the existing uses under the existing California Department of Fish and Game leases and regulatory authority.
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The Twelve dEIS Comments (that you can make)
City, State, and Zip Code are the ONLY requirements when posting comments and
you can post multiple comments.
Below are twelve comments you can make, just copy a comment and paste it into the comment area at
http://parkplanning.nps.gov/commentForm.cfm?parkID=333&projectID=33043&documentID=43390
Then go back and do it again, until you have added all twelve.
1
I support a renewable Special Use Permit for Drakes Bay Oyster Company
I support the Collaborative Management Alternative proposed by Drakes Bay Oyster Company.
DBOC must be allowed to continue the existing uses under the existing California Department of Fish and Game leases and regulatory authority.
2
Potential impact on wildlife is not properly assessed.
The dEIS claims that removing the oyster farm would benefit harbor seals; that claim is false. Drakes Estero is currently home to one of the largest harbor seal populations on the California coast and the harbor seal population has remained constant for decades, according to Dr. Sarah Allen’s Annual report on Harbor Seals at Drakes Estero.
I support a renewable Special Use Permit for Drakes Bay Oyster Company
I support the Collaborative Management Alternative proposed by Drakes Bay Oyster Company.
DBOC must be allowed to continue the existing uses under the existing California Department of Fish and Game leases and regulatory authority.
3
I support a renewable Special Use Permit for Drakes Bay Oyster Company, especially the Collaborative Management Alternative proposed by Drakes Bay Oyster Company.
The dEIS includes much discussion about special-status species
It concludes that the oyster farm could potentially negatively impact these species
NONE OF THE SEVEN Endangered species mentioned in the dEIS live in the project area!
The dEIS fails to provide an accurate assessment of the oyster farm’s proven ability to operate without harming wildlife or wildlife habitat.
The final document should reconsider all wildlife issues and provide a data based assessment.
I support a renewable Special Use Permit for Drakes Bay Oyster Company
I support the Collaborative Management Alternative proposed by Drakes Bay Oyster Company.
DBOC must be allowed to continue the existing uses under the existing California Department of Fish and Game leases and regulatory authority.
4
Environmental benefits are misrepresented and/or missing.
PRNS has been rebuked for misrepresenting the facts about the environmental benefits of oyster farming yet, the dEIS misrepresents those facts again, calling the removal of the oyster farm the “environmentally preferable” alternative.
The dEIS fails to address the important ecological services provided by oysters, including filtering water and reducing nitrogen in the water. Drakes Estero is one of the most pristine estuaries IN THE COUNTRY DUE TO THE PRESENCE OF THE OYSTERS.
The dEIS fails to address the environmental impacts of the following:
I support a renewable Special Use Permit for Drakes Bay Oyster Company
I support the Collaborative Management Alternative proposed by Drakes Bay Oyster Company.
DBOC must be allowed to continue the existing uses under the existing California Department of Fish and Game leases and regulatory authority.
5
Economic impacts are not adequately addressed.
The dEIS states, removing the oyster farm would cause “major, long-term, adverse effects to the California shellfish market” but
The dEIS must assess and address the economic impacts of eliminating the production of nearly 40% of California’s oysters and the subsequent impact on the economy.
I support a renewable Special Use Permit for Drakes Bay Oyster Company
I support the Collaborative Management Alternative proposed by Drakes Bay Oyster Company.
DBOC must be allowed to continue the existing uses under the existing California Department of Fish and Game leases and regulatory authority.
6
Socioeconomic impacts are not properly addressed furthermore the analysis is flawed.
Geographic parameters used throughout this chapter
Considered properly:
The analysis presented here is insufficient.
This section should be reformulated and corrected for the dEIS.
I support a renewable Special Use Permit for Drakes Bay Oyster Company
I support the Collaborative Management Alternative proposed by Drakes Bay Oyster Company.
DBOC must be allowed to continue the existing uses under the existing California Department of Fish and Game leases and regulatory authority.
7
Impacts to local habitat restoration efforts and endangered species are not addressed
I support a renewable Special Use Permit for Drakes Bay Oyster Company
I support the Collaborative Management Alternative proposed by Drakes Bay Oyster Company.
DBOC must be allowed to continue the existing uses under the existing California Department of Fish and Game leases and regulatory authority.
8
The historic cultural role of the oyster farm in West Marin is not adequately addressed. The EIS must assess
I support a renewable Special Use Permit for Drakes Bay Oyster Company
I support the Collaborative Management Alternative proposed by Drakes Bay Oyster Company.
DBOC must be allowed to continue the existing uses under the existing California Department of Fish and Game leases and regulatory authority.
9
Existing management policies are not considered.
The existing management policies must be considered and addressed.
I support a renewable Special Use Permit for Drakes Bay Oyster Company
I support the Collaborative Management Alternative proposed by Drakes Bay Oyster Company.
DBOC must be allowed to continue the existing uses under the existing California Department of Fish and Game leases and regulatory authority.
10
National aquaculture policies are ignored.
Shellfish aquaculture is widely recognized nationally, and globally, as having a valuable role in the protection of wild fish resources.
The National Oceanic and Atmospheric Administration (NOAA) is encouraging aquaculture for this and many other reasons.
The dEIS should consider these policies.
I support a renewable Special Use Permit for Drakes Bay Oyster Company
I support the Collaborative Management Alternative proposed by Drakes Bay Oyster Company.
DBOC must be allowed to continue the existing uses under the existing California Department of Fish and Game leases and regulatory authority.
11
None of the alternatives is appropriate. While the NEPA process mandates the consideration of a “no-action alternative,” there are no alternatives presented in the dEIS that qualify as “no-action.”
I support a renewable Special Use Permit for Drakes Bay Oyster Company
I support the Collaborative Management Alternative proposed by Drakes Bay Oyster Company.
DBOC must be allowed to continue the existing uses under the existing California Department of Fish and Game leases and regulatory authority.
12
DRAKES BAY OYSTER COMPANY SPECIAL USE PERMIT:
Collaborative Management Alternative
COLLABORATIVE MANAGEMENT ALTERNATIVE: A Ten-Year Special Use Permit with Option for Extension; Rehabilitation of Existing Facilities; and Construction of New Processing Facilities
This alternative permits DBOC to continue to utilize onshore facilities within the Seashore (PRNS) pastoral zone to support shellfish cultivation in Drakes Estero pursuant to its leases from the California Department of Fish and Game [CDFG]. DBOC would pay “fair market value” for use of the on-shore facilities, which would take into account the value of interpretive services provided and the investment needed to rehabilitate existing facilities and construct new processing facilities. The rehabilitation and construction work would be as described in the discussion of Alternative D.
Under this alternative, DBOC will collaborate with relevant organizations, including but not limited to the NPS, the CDFG, the UC SeaGrant program, and other educational and research agencies and in developing interpretive programs and scientifically valid research projects as recommended by the NRC and MMC. This alternative provides educational opportunities for people of all ages, including Seashore visitors, students, and researchers, relating to estuarine ecology and mariculture.
This alternative is consistent with the “national interest” expressed in President Clinton’s May 26, 2000 Executive Order 13158 directing the Departments of Commerce (DOC) and Interior to expand and strengthen the “Nation’s system of marine protected areas.” It respects the California Fish and Game Commission designation, effective May 2010, of Drakes Estero as a State Marine Conservation Area (SMCA), a protected area in which recreational clam digging and shellfish cultivation pursuant to CDFG leases are permitted. DBOC’s operation within a SMCA and PRNS presents a unique opportunity for collaborative research that supports the policies of the National Shellfish Initiative [Initiative] announced by NOAA and DOC in June 2011, and responds directly and positively to NRC and MMC recommendations regarding collaborative efforts to inform adaptive management of Drakes Estero.
This alternative supports the goals of the Initiative, which are to increase domestic seafood production, create sustainable jobs, and restore marine habitats. It provides opportunities for research as called for by the Initiative, “….on the interactions between shellfish and the environment in terms of climate change, ocean acidification, naturally occurring pathogens and parasites, and other factors . . .” This alternative supports DBOC’s efforts to restore native oysters in Drakes Estero and to study the potential for native oysters to withstand the effects of global ocean acidification now beginning to affect all Pacific coast shellfish.
This alternative sustainably supports the local economy by continuing to attract thousands of ethnically diverse visitors to West Marin every year and continuing to provide over half of the San Francisco Bay Area’s sustainably farmed shellfish. It protects desperately needed affordable housing for farm workers on remote Point Reyes ranches.
Under this alternative, DBOC will continue to provide essential oyster shell for environmental programs, such as the San Francisco Bay Native Oyster Restoration Project, the SF Bay Bird Observatory Snowy Plover Habitat Enhancement Project and the California Department of Fish and Game Least Tern Habitat Enhancement Project.
This alternative supports a landscape that is ecologically and economically sustainable. It is consistent with the natural resource management provisions in the PRNS General Management Plan, and enables the Seashore to collaboratively integrate ecosystem science and natural and cultural resource management to better understand and manage relationships among the physical, biological, and cultural elements of a working land and seascape, while maintaining its distinctive “sense of place and character.”
I support a renewable Special Use Permit for Drakes Bay Oyster Company
I support the Collaborative Management Alternative proposed by Drakes Bay Oyster Company.
DBOC must be allowed to continue the existing uses under the existing California Department of Fish and Game leases and regulatory authority.
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Posted by Jane Gyorgy on December 6, 2011
https://oysterzone.wordpress.com/2011/12/06/the-twelve-deis-comments-you-can-make/